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Texas v. Johnson

No. 6:16-cv-00284 District · Decided Teaching/Historical
Court
Federal Court
txwd
Decided
Mar 31, 2021
Filed
Jul 15, 2016
Judge (CL)
Alan D Albright
Filed (CL)
Jul 15, 2016
CL Status
terminated

Legal Issues

First Amendment; flag burning; symbolic speech

BrynoDC Coverage 1 video

TikTok
Feb 5, 2026

The Facts

Gregory Lee Johnson burned an American flag outside the 1984 Republican National Convention in Dallas to protest Reagan administration policies. He was convicted under a Texas statute prohibiting desecration of venerated objects. The Texas Court of Criminal Appeals reversed, finding the statute unconstitutional as applied to expressive conduct. The state appealed to the U.S. Supreme Court.

The Issue

Whether burning the flag as political protest is expressive conduct protected by the First Amendment despite a state law prohibiting flag desecration. • Whether a state has a compelling interest in preserving the flag as a symbol that justifies restricting such expressive conduct.

The Rules

U.S. Const. amend. I First Amendment Protection of Expressive Conduct

Congress shall make no law abridging freedom of speech. Symbolic conduct conveying a particularized message receives First Amendment protection when the likelihood of conveying a message is substantial.

Texas Penal Code § 42.09 Texas Flag Desecration Statute

Statute prohibited intentional or knowing desecration of the Texas or United States flag with intent to offend or knowing it will offend others.

Texas v. Johnson, 491 U.S. 397 (1989) Symbolic Speech and Content-Based Restrictions

The government cannot prohibit expression simply because society finds the idea expressed offensive or disagreeable. Content-based restrictions on expressive conduct must serve a compelling governmental interest and be narrowly tailored.

The Application

History

Johnson's flag burning was expressive conduct—political speech in symbolic form—protected by the First Amendment because it conveyed a specific message about his opposition to Reagan administration policies. Texas justified its statute as protecting the flag's symbolic status as a national emblem, but the Court identified this as a content-based restriction targeting speech based on its message rather than any conduct element. The government cannot prohibit expression simply because the message is offensive or disagreeable, so the state failed to establish a compelling interest that would override First Amendment protection, regardless of the flag's cultural importance to the nation. Therefore, the statute was unconstitutional as applied to Johnson's expressive conduct.

The Conclusion

**The Supreme Court held 5-4 that flag burning constitutes symbolic speech protected by the First Amendment.** The Court struck down the Texas flag desecration statute as unconstitutional content-based restriction on expression. The majority reasoned that the government cannot prohibit expression simply because society finds it offensive or disagreeable, and the state failed to demonstrate a compelling interest that would justify such restriction.

Federal Court TMR-dbc504a9 May 13, 2026

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